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Official guidance
Capital Gains Manual

CG51620P · Shares and securities: share identification rules: share identification rules for Corporation Tax: section 104 holding

  • CG51620 · Share identification rules for corporation tax: section 104 holding
  • CG51621 · Share identification rules for corporation tax: section 104 holding: creating the holding
  • CG51622 · Share identification rules for corporation tax: section 104 holding: disposals from the holding
  • CG51623 · Share identification rules for corporation tax: section 104 holding: disposals after 30/11/93p
  • CG51624 · Share identification rules for corporation tax: section 104 holding: disposals 30/11/93+: example
  • CG51625 · Share identification rules for corporation tax: section 104 holding: no gain/loss transfers 30/11/93p
  • CG51626 · Share identification rules for corporation tax: section 104 holding: options
  • CG51627 · Share identification rules for corporation tax: section 104 holding: calls on shares and indexation
  1. Shares and securities: share identification rules: share identification rules for Corporation Tax: section 104 holding: contents
  2. Share identification rules for corporation tax: section 104 holding: no gain/loss transfers 30/11/93p

CG51625 | Share identification rules for corporation tax: section 104 holding: no gain/loss transfers 30/11/93p

From HM Revenue & Customs · Capital Gains Manual

The commonest type of no gain/no loss transfer for corporation tax is a disposal between members of the same group of companies, TCGA92/S171. Where such an transfer is made on or after 30 November 1993 indexation is added only to the pool of indexed expenditure. For transfers made before that date indexation was added to both the pool of qualifying expenditure and the pool of indexed expenditure for the transferee company.

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